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Thursday, Oct 24, 2019 at 1:30 PM to 6:00 PM CET
Al. Jana Pawla Ii 21, Warsaw, Poland, 00-854, Poland
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In today’s tax transparent and globalized world, companies, wealth owners and their advisors face a set of new and demanding regulatory and tax compliance challenges. Recent developments in the area of tax transparency and exchange of information for tax purposes have created a competitive landscape in which efficiently complying with tax laws is a key to success.
The 2019 Poland Tax Conference will discuss the most recent developments in Polish tax law, both from a domestic and international tax law perspectives.
The conference will also include a comparative law analysis for selected jurisdictions.
Outstanding tax practitioners and scholars will explore the key aspects in a tax transparent world.
Exchange Ideas offers a variety of industry-specific tax conferences around the globe. Exchange Ideas will also enable you to anticipate future changes and developments before regulations and laws become effective, allowing you to plan your client’s strategies accordingly.
This event is currently unable to accept new registrations
INDUSTRIE- UND FINANZKONTOR ETS.
CharlesRussellSpeechlys
• Anti-tax avoidance legislation – current experiences, the approach of the tax authorities and courts, recommendations and latest rulings • CFC legislation – practice, loopholes, impact on the existing structures such as foundations and investment funds (collective, closed-ended and alternative) and other holding structures • Prolongation of exit tax liability – overview of the ECJ relating cases, formal aspects of settling tax liability • The new withholding tax regime in view of the tax structuring
GWW, Poland
Domanski Zakrzewski Palinka, Poland
• Overview on the relevant recent developments in Polish international tax law. Status of the implementation of BEPS in Poland, such as: - Beneficial ownership concept and impact on flow of dividends and interest - Ratification of MLI Convention (status) - Hybrid instruments – new regulation in Polish law • Digital economy vs permanent establishment and digital tax concept – expected developments • Status of implementation and features of registries of beneficial ownership
Wolf Theiss, Poland
• Comparative study with selected jurisdictions: Liechtenstein, Poland, Luxemburg • Regulated funds, closed-end investment funds, alternative investment funds • CFC taxation, application of double tax treaties, impact of new withholding tax rules
CharlesRussellSpeechlys, Luxembourg
• Various instruments used for wealth preservation. Circumstances under which Foundations represent an efficient planning tool • Practical example addressing the setting up of a Liechtenstein Foundation by a Polish individual • Aspects regarding the use of Foundations for wealth preservation purposes • Main tax aspects (benefits – risks) surrounding Foundations
INDUSTRIE- UND FINANZKONTOR ETS., WEALTH PRESERVATION EXPERTS, Liechtenstein
• Official position of the Ministry of Finance • Sharing first experiences • Best practices • Amendments of regulations
• Tax-compliant planning strategies for Polish individuals meeting the requirements of transparency and substance. • Adaptation of the old structures to the new tax environment – substance, justification, risk of tax avoidance, limitations and best practices for justifying a change. • Case studies on exit taxation
• Case studies on tax planning from a Polish perspective for individuals and corporations involving Switzerland, Luxemburg and Lichtenstein through the use of holding, IP, operating/trading and financing companies. Inbound scenarios (Swiss and foreign investors investing in Poland). • Case studies on tax planning from a Polish perspective for individuals and corporations involving Switzerland, Luxemburg and Lichtenstein through the use of holding, IP, operating/trading and financing companies. Outbound scenarios (Polish investors investing in Switzerland, EU and other non-EU countries).
Badertscher Attorneys at Law / Lucerne University of Applied Sciences and Arts, Switzerland
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